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INTRODUCTION TO WORK HEALTH AND SAFETY ACT IMPLICATIONS FOR GROUP TRAINING ORGANISATIONS (GTO). WHAT CHANGES?. A new Work Health & Safety Act will replace the current NSW OHS Act A new set of Work Health & Safety Regulations will replace the current NSW OHS regulations.
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INTRODUCTION TO WORK HEALTH AND SAFETY ACT IMPLICATIONS FOR GROUP TRAINING ORGANISATIONS (GTO)
WHAT CHANGES? • A new Work Health & Safety Act will replace the current NSW OHS Act • A new set of Work Health & Safety Regulationswill replace the current NSW OHS regulations
THE KEY CHANGES IN SUMMARY • The concept of the employer with responsibility for WHS has been broadened by using the term person conducting a business or undertaking (PCBU) • The concept of the worker also has been broadened to someone who carries out work for a PCBU in any capacity • PCBUs will have to consult more directly and widely with both workers and other PCBUs on related work activities
THE KEY CHANGES IN SUMMARY • Under the WHS Act the prosecution will have to prove the case thus abolishing the current reverse onus of proof situation • Officers of PCBUs now have a duty to exercisedue diligence to ensure compliance obligations are met This icon indicates more information can be found in a specific training module on this topic
WHAT IS A PCBU? • A PCBU is a person or duty holdersuch as a company or partnership that operates the business. A GTOis a PCBU • Examples of PCBUs would be companies, host employers, franchisees, self employed, contractors and sub contractors • PCBUs are not persons employed solely as workersor volunteerassociation who do not employ anyone
WHO IS A WORKER? A workeris a person who carries out work in any capacity for a PCBU, including work as: • an employee • a contractor or subcontractor • an employee of a contractor or subcontractor • an employee of a labour hire company assigned to work in the business or undertaking • an outworker • an apprentice or trainee • a student on work experience • a volunteer
WHO ARE PCBUs RESPONSIBLE FOR? • PCBUs are responsible for the health and safety of: • Workers - but more than just employees. The new Act does not rely on the employment relationship • Workers could be direct employees, employees of contractors orapprentices or trainees employed by a GTO • Others who could be affected by the business’s activities such as visitors, customers or members of the public
WHAT WILL HOST EMPLOYERS BE RESPONSIBLE FOR? • Ensuring the health and safety of apprentices and trainees placed with them by the GTOso far as is reasonably practicable as well as more specific responsibilities such as: • Consultationwith workers and other PCBUs • ResolvingWHS issues • Ensuring the health and safety of others • Complying with specific regulationsthat apply to the business • Notifying incidents
WHAT IS MEANT BY REASONABLY PRACTICABLE? • Reasonably practicable represents what can reasonably be done in the circumstances. It takes into account : • The likelihood of the hazard or risk occurring • The degree of harm or possible consequences • The state of knowledge about the risk and the availability and suitability of ways of eliminating or minimising it • Finally, only after consideration of the above points, reasonably practicable takes into account the costof eliminating hazards or risks
HOST EMPLOYERS AND CONSULTATION • Host employers have to consult with all apprentices and traineeswho carry out work or who may be directly affected by a WHS matter • in accordance with the Act • on certain matters • with HSR*– if workers represented by that HSR • *The broad definition of worker means that a work group clearlyincludes workers such as apprentices and trainees on placement
HOST EMPLOYERS AND COORDINATION • Host employers also have to consult, cooperate and coordinate activities with other duty holders who share WHS responsibilities. • The GTO is another duty holder or PCBU who shares WHS responsibilities.As is the case currently both parties would need to work together on: • Placement assessments • Monitoring • WHS impacts of work practice and process changes • Incident follow up
WHAT RESPONSIBILITIES DOES THE GTO HAVE? • A GTO as a PCBU continues to have a primary duty of care to its in house employees (and to apprentices and trainees placed with host employers). It also has more specific responsibilities such as: • Consultation with workers and other PCBUs • Resolving WHS issues • Ensuring the health and safety of others • Complying with specific regulationsthat apply to the business • Notifying incidents
WHAT RESPONSIBILITIES DOES THE GTO HAVE? • A GTO as the PCBU that places workers with another PCBU also needs to: • Consultwith workers and the host employer (now a legislated requirement not just good practice) on WHS issues • Place trainees in workplaces that have been assessed as suitable • Provide generic WHS induction training • Monitor the placement and follow up WHS issues
RESPONSIBILITIES: OFFICER DUTIES • The WHS Act states that if a PCBU has a duty or obligation under the Act, an officer of the PCBU must exercise due diligence to ensure that the PCBU complies with the duty or obligation • An officer is primarily defined by the Corporations Act • This is a positive duty imposed on officers to ensure the organisation is complying
RESPONSIBILITIES: OFFICER DUTIES • To exercise due diligence an officer must take reasonable steps to: • Acquire work health and safety knowledge relevant to the business and keep up to date • Understand the health and safety risks in the business • Provide resources to identify and control risks • Ensure the PCBU has processes to receive and consider information about hazards, risks and incidents • Ensure the PCBU has process to comply with the WHS Act • Verify the provision and use of the above resources and processes
GTOs and OFFICER DUTIES • The key decision makers in GTO such as CEOs and Directors will need to demonstrate due diligence by practices such as: • Ensuring placement and monitoring processes are effective • Actingon unsafe practices/ workplaces/incidents • Regular reporting on safety performance • Ensuring suitable WHS expertise is retained
RESPONSIBILITIES: COMPLYING WITH REGULATIONS • The new Act will be supported by specific regulations covering similar hazardsto the current NSW regulations • (e.g. manual handling, noise, chemicals) • PCBUs, including GTOs,will need to comply with these regulations • The regulations in many cases use the term so far as is reasonably practicable to guide the use of prevention measures • The regulations include many of the administrative aspects of licences and permits relevant to apprentices and trainees • (e.g. pressure equipment, scaffolding, rigging)
RESPONSIBILITIES: SAFETY OF OTHERS • Host employers and GTOs must also take into account the safety of otherswho may be affected by their business operations such as visitors, customers and members of the public • A host employer has a responsibility to otherssuch as a GTO officer in the workplace to monitor the placement • Otherssuch as a GTO officerin the workplace also have similar duties not to put themselves or anyone else at risk
WHAT RESPONSIBILITIES DO APPRENTICES AND TRAINEES HAVE? • Must take reasonable care of own health & safety • Must take reasonable carethat conduct does not adversely affect others • Must comply, so far as he/she is reasonablyable, with instructions • In addition apprentices and traineesmust cooperate with reasonable notified policies and procedures
PREPARATION FOR CHANGES • Think about the WHS issues you will need to coordinatewith host employers such as placement assessment and monitoring • Work out what is reasonably practicable in the way you exercise your responsibilities in relation to the host employer • Ensure you have arrangements to enable you to consult with workers and host employers
PREPARATION FOR CHANGES • Make sure you take into account the public safety aspect of othersin managing placements • Make sure you are able to able to show due diligence for WHS by reviewing the governance standards in your organisation • Check any specific compliance requirements in the new regulations